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Limitations on Subcontracting: Step-by-Step, Plain English Guides


Koprince Law LLC

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In my legal career representing hundreds of small businesses in government contracting, few topics have caused as much confusion as the limitations on how much work can be subcontracted on small business set-aside contracts and sole source contracts (like 8(a) Program direct awards).

Earlier, working with my friends at Govology, I put together step-by-step compliance guides for service contractors, construction contractors, manufacturers, and nonmanufacturers. Each guide is written in plain English and includes examples to help demonstrate how the SBA’s limitations on subcontracting rule (13 C.F.R. 125.6) works in practice.

Here’s where to find my limitations on subcontracting guides:

While you’re on the Govology site, be sure to check out Govology’s live and on-demand training, including plenty of courses offered by the Koprince Law LLC legal team.

Questions about this post? Or need help with a government contracting legal issue? Email us or give us a call at 785-200-8919.

The post Limitations on Subcontracting: Step-by-Step, Plain English Guides first appeared on SmallGovCon - Government Contracts Law Blog.

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Thank you!  

This is a messy area.  In addition to the messiness in figuring out what portion of the contract may be subcontracted, there is also messiness in what a subcontract is.  FAR 19.701 and FAR 44.101 have two different definitions!

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